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Regarding the Usefulness of the
Uniform Business Practices Manual
For State Regulatory Agencies
WHEREAS, A coalition of four industry groups; the Edison Electric
Institute (EEI), the Coalition for Uniform Business Rules (CUBR),
the National Energy Marketers Association (NEMA) and the Electric
Power Supply Association (EPSA) have been engaged in an effort to
develop uniform business practices (UBP) for the interaction between
marketers, utilities and customers in unbundled retail electric
and natural gas markets;
WHEREAS, On March 13, 2000, the coalition published the UBP Interim
Report for the purpose of receiving public comment:
WHEREAS, The UBP Interim Report contained six chapters: 1) Introduction,
2) Preface, 3) Customer Switching, 4) Customer Information, 4) Billing
and Payment, 5) Load Profiling, and 6) Glossary;
WHEREAS, On April 26, 2000, NASUCA and the American Association
of Retired Persons (AARP) submitted comments on the Interim Report
suggesting, in addition to a variety of specific changes, that the
UBP document should not attempt to resolve the important policy
issues to be addressed in state unbundling proceedings but should
focus on the practices necessary to implement policy decisions;
WHEREAS, On August 1, 2000, the final versions of the six chapters
in the Interim Report were published,
WHEREAS, The six chapters published on August 1 provide a listing
of the important policy issues for each chapter that must be decided
by regulators but does not attempt to resolve these policy issues,
WHEREAS, The six chapters published on August 1 reflect NASUCA’s
overall concern with the document, but did not incorporate all of
NASUCA’s proposed changes and thus contain language to which
NASUCA objects,
WHEREAS, The final version of the Preface contains a section entitled
“Cost Recovery”, which encourages regulators to give
consideration to the recovery of the costs of implementing the Uniform
Business Practices,
WHEREAS, NASUCA believes that cost recovery issues are beyond the
scope of the purpose of the UBP manual and should not be a subject
of the manual,
WHEREAS, The final version of the Customer Enrollment and Switching
chapter contains a discussion of default service which encourages
regulators to recognize the “many” risks associated
with default service in the pricing and the terms and conditions
of such service,
WHEREAS, The determination whether any default service provider
is subject to lesser, greater or equal risk than utilities experienced
prior to unbundling and whether such risk should be regulated in
the pricing and/or terms of default service is a decision to be
made by regulators in each jurisdiction and should not be a subject
of the UBP manual,
WHEREAS, On August 1, 2000 a second Interim Report was published
for public comment containing five additional chapters: 1) Supplier
Licensing, 2) Creditworthiness, 3) Disputes Between Utility and
Supplier, 4) Market Participant Interaction, and 5) Customer Inquiries,
WHEREAS, On September 21, 2000, NASUCA and AARP submitted comments
on the August 1 Interim Report, suggesting modifications that would
strengthen the consumer protections in the report,
WHEREAS, NASUCA believes that the final UBP manual will be helpful
for states that decide to restructure their fully integrated electric
and/or natural gas utilities,
WHEREAS, The UBP manual is the result of negotiations between utilities,
marketers, consumer groups and other parties and as such reflects
the minimum level of consumer protections that should be considered
by regulators in developing unbundled electric or natural gas markets,
WHEREAS, The UBP manual is necessarily based upon the experience
with state unbundling programs to date and should not be used as
an impediment to modification of practices and procedures as more
innovative approaches are developed,
THEREFORE BE IT RESOLVED, that the National Association of State
Utility Consumer Advocates (NASUCA) encourages state regulators
to consider the use of the Uniform Business Practices (UBP) Manual
as an appropriate guide for the development of procedures necessary
to unbundle retail electric and natural gas markets,
BE IT FURTHER RESOLVED, that NASUCA encourages the adoption of
greater consumer protections than those reflected in the manual
where appropriate,
BE IT FURTHER RESOLVED, that NASUCA opposes the consideration of
the portions of the UBP Manual that are not appropriately concerned
with the procedures necessary to implement the uniform business
practices outlined in the Manual,
BE IT FURTHER RESOLVED, that NASUCA authorizes the Executive Committee
to develop positions and take further actions consistent with the
contents of this resolution. The Executive Committee shall inform
the membership of such positions and actions prior to proceeding
with them, if at all possible. In any event, the Executive Committee
will advise the membership of any actions taken consistent with
the recommendations contained herein.
Approved by NASUCA: Submitted by: NASUCA Gas Committee
Place: San Diego, California
Date : November 14, 2000
National Association of State Utility Consumer Advocates 8380 Colesville Road, Suite 101, Silver Spring, MD 20910 Phone: (301) 589-6313 Fax: 589-6380 e-mail: nasuca@nasuca.org |